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IFAC POLICY POSITION 3 September 2011
INTERNATIONAL STANDARD SETTING IN THE PUBLIC INTEREST
Introduction
This paper outlines the rationale for the regulatory arrangements put in place for setting international
standards for auditing and assurance, ethics, and accounting education; arrangements in which
responsibility is shared between the public sector and the private sector.
While the IFAC policy position paper on regulation of the accounting profession2 addresses regulatory
issues at the national level, the focus of this paper is on standard-setting arrangements at the
international level.
Context
In the past ten years, following several major corporate collapses around the globe, there has been
considerable regulatory reform (e.g., the introduction of the Sarbanes-Oxley Act in the US in 2002) which
has impacted the accountancy profession. Arrangements for international standard setting described in
this paper were designed and implemented in the context of this environment and have been subject to
subsequent enhancements and review. This period has been typified by an ongoing and significant shift
in regulatory systems whereby public sector regulatory organizations play a greater role in standard
setting and oversight—both internationally and at a national level.
In 2010 the Monitoring Group (MG) completed a review of oversight arrangements that were in operation
since 2005. The review noted that virtually all of the changes proposed in the IFAC Reforms (see below)
had been implemented, and recognized the numerous achievements with respect to their implementation.
All participants in the international standard-setting arrangements recognize that standard setting in the
public interest is a challenge that requires ongoing continuous improvement.
1 Defined public sector roles are the responsibility of the Monitoring Group (MG), the Public Interest Oversight Board (PIOB), the
Consultative Advisory Groups (CAGs), and through observer roles on the standard-setting boards–refer to Appendix 2 for a
description of the composition and responsibilities of these groups. The private sector roles are the responsibility of the
independent standard-setting boards supported by the International Federation of Accountants (IFAC) and through the
membership on the standard-setting boards of representatives of IFAC member bodies and of the Forum of Firms (FoF).
2 Refer to IFAC’s Policy Position Paper 1, Regulation of the Accountancy Profession, September 2011.
Current arrangements for international standard setting, which encompass a combination of
public and private sector roles,1 provide a structure and process that operate and are seen to
operate in the public interest, in a context in which there are needs for legitimacy, independence,
transparency, performance (encompassing technical competence, responsiveness and efficiency)
and accountability.
2
Notable milestones over the last decade include:
2000-2002: Significant enhancements were made to the transparency of the due process of
standard-setting boards. Also, there was a change of title from the International Auditing Practices
Committee (IAPC) to the International Auditing and Assurance Standards Board (IAASB). Similar
enhancements were later put in place, and changes of title made, for the International Ethics
Standards Board for Accountants (IESBA) and the International Accounting Education Standards
Board (IAESB).
2002-2005: The “IFAC Reforms” (sometimes referred to as the “2003 Reforms”)—which centered
on enhancing the governance arrangements of the independent standard-setting boards—were
developed and implemented from 2003, with the PIOB commencing 2005. These arrangements
included the establishment of the MG, PIOB and CAGs to strengthen the standard-setting
processes in the public interest. In addition to implementing the reforms outlined in the terms of the
agreement between IFAC and key stakeholders, IFAC introduced additional reforms that were
consistent with the overall objective of enhancing governance arrangements.
2005-continuing: Independent standard-setting boards operate under the reformed governance and
oversight arrangements.
2010-2011: MG review identified a number of near-term actions for IFAC and the standard-setting
boards it supports focused on further enhancing diversity, transparency, and accountability. IFAC
and the MG agreed on the implementation of the recommendations made in the MG review.
2011-continuing: The IFAC Board is considering amendments to the governance process of the
International Public Sector Accounting Standards Board, including public oversight. Currently the
IPSASB is not subject to oversight by the PIOB.
Objectives in Designing the Arrangements for Shared Responsibility for
International Standard Setting
There are three key aspects of the arrangements for the system for international standard setting:
First, the overriding objective in the design of the standard-setting process is to ensure that the
institutional arrangements are, and are seen to be, properly responsive to the public interest3 at a
global level.
Second, a key issue for the public interest is the legitimacy and independence of the standard-
setting process, in order to increase public confidence in the standard-setting arrangements and,
ultimately, to strengthen financial reporting. Key elements of the arrangements to increase
legitimacy and independence are an external process for monitoring and oversight of standard
setting, and increased transparency.
Third, it is important to maintain the technical competence of the standard-setting process while
ensuring that there is a sufficiently strong element of public oversight to achieve the first two
objectives above.
These arrangements are “also designed to contribute to the achievement of global convergence to high-
quality standards,”4 recognizing the importance to the global economy of achieving convergence.
3 Refer to IFAC’s Policy Position Paper 5, A Definition of the Public Interest, June 2012.
4 IFAC Reform Proposals, Page 3, IFAC 2003.
3
Public Interest
The arrangements established for standard setting are based on the premise that unless appropriate
structures and processes for governance and oversight and appropriate levels of transparency are
instituted, the public interest would not be protected.5
Central to these arrangements is the PIOB (refer to Box 1 for a description of several examples of PIOB
oversight responsibilities), whose responsibility is to maintain oversight of the standard-setting activities
carried out by the IAASB, the IESBA, and the IAESB and of the activities of the Compliance Advisory
Panel (CAP).6
Box 1: PIOB Oversight Responsibilities
While the PIOB is not the only mechanism established to protect the public interest, it is a vital component
without which other elements would not be perceived as sufficiently robust to protect adequately the
public interest.
Protection of the public interest is given effect through the governance arrangements in place for the
standard-setting boards supported by IFAC. These arrangements include clearly defined responsibilities
for different components of the governance structure. Responsibility for external public accountability
rests with the MG, which monitors the overall standard-setting arrangements, including the work of the
PIOB. While the PIOB has responsibility for the oversight of the standard-setting boards’ due processes
and operations, the IFAC Board is responsible for the management and administrative functions of the
boards. The boards themselves are focused on standard setting.
Legitimacy
Legitimacy is achieved when the standard-setting arrangements, both in structure and process, give the
standards the level of authority necessary, in an international setting, to generate confidence in the
standards of auditing and assurance, ethics, and accounting education, and through those, confidence in
financial reporting.
Legitimacy is achieved, in part, through independence in the structure and decision making of the
standard-setting boards, which is critical. However, for there to be legitimacy, there must also be high
levels of transparency, appropriate levels of performance from the standard setter, and accountability of
5 See Appendix 1, “Standard-Setting Boards’ Oversight and Consultation” and “International Standard-setting Process.” These
diagrams have been extracted from the PIOB website: www.ipiob.org/.
6 The CAP oversees the implementation and operation of IFAC’s Compliance Program, which is a developmental program
designed to achieve the long-term development of the accountancy profession through IFAC’s member bodies taking action to
enhance their compliance with Statements of Member Obligations (SMOs). This paper does not address the arrangements for
achieving compliance with standards; instead it focuses only on standard setting.
The PIOB has oversight of critical elements of the standard-setting processes, including:
The Nominating Committee’s process for selection of the members and chairs of the standard-
setting boards, whose appointments must be approved by the PIOB.
Terms of Reference for the standard-setting boards, which must be approved by the PIOB.
Due process in relation to standard setting, which must be approved by the PIOB.
Compliance with due process having been followed for each new standard, with PIOB sign-off
before the standard can be issued.
4
the standard setter to stakeholders, especially the international regulatory community. In other words,
legitimacy cannot be achieved unless all these elements are present. Unless the arrangements are seen
as being legitimate, there will not be confidence that the public interest is being served.
Legitimacy is also achieved through representation in the standard-setting process. One key element of
representation relates to geographic or regional representation (refer to Box 2).
Box 2: Representation on Standard-Setting Boards – Geographic or Regional
A second element of representation derives from the notion that those who agree to abide by a set of
rules have the greatest stake in the efficacy of those rules, as well as the strongest incentive to set
appropriate and proportionate rules. In this sense, standards have greater legitimacy if there is an
appropriate representation on the standard-setting boards of jurisdictions that do, or intend to, apply those
rules (refer to Box 3).
Box 3: Representation on Standard-Setting Boards – Jurisdictions Applying Standards
While legitimacy is a test that standard-setting arrangements must meet if the standards are to be widely
adopted, there is an additional, critical point to be considered when considering the protection of the
public interest in a specific national jurisdiction. The adoption of the standards in any jurisdiction is
ultimately a matter that has to be decided by the legislative or regulatory authorities in that country.
Hence, each jurisdiction has the ultimate safeguard of not adopting the standards if they perceive that the
standards are contrary to the national interest in that country, irrespective of the extent to which the
standards are adopted elsewhere and are perceived to be legitimate.
Nevertheless, to the extent that adoption or endorsement of standards signals general acceptance and is
a reflection of their legitimacy, it is helpful in the context of this paper to outline the position with respect to
adoption and endorsement of standards that have been issued by the independent standard-setting
boards supported by IFAC. This is outlined in summary form in Appendix 3 of this paper.
7 Established through the IFAC Reforms of 2003, the MG consists of international regulatory organizations and governmental
authorities responsible for protecting and advancing the public interest and committed to supporting the development of high
quality international auditing and assurance standards. The MG consists of the Basel Committee on Banking Supervision, the
EC, the International Association of Insurance Supervisors (IAIS), the International Organization of Securities Commissions
(IOSCO), and the World Bank, as well as two observers: the Financial Stability Forum (FSF) and the International Forum of
Independent Audit Regulators (IFIAR).
The system for international standard setting is designed to facilitate participation from nations at different
stages of economic development and across diverse cultures.
In 2006, the IFAC Nominating Committee established a regional classification system that organizes its
member bodies into six geographical areas: Africa/Middle East, Asia, Australasia/Oceania, Europe, Latin
America and the Caribbean, and North America. In order to maintain geographical balance, the
committee seeks to appoint individuals from each area on the standard-setting boards.
IFAC has also established a program to subsidize the travel expenses of members from developing
nations on all of the boards and committees it supports. This measure aims to improve participation in the
standard-setting process from countries in the developing world.
For the IAASB there is a requirement, negotiated between IFAC, the European Commission (EC), and the
Monitoring Group (MG),7 that the majority of members must come from jurisdictions that apply, or intend
to apply, the International Standards on Auditing (ISAs).
5
Independence
In order to be seen as legitimate, independence is essential to a standard setter. Independence, in the
standard-setting context, refers to freedom from inappropriate pressure, from whatever source, in
decision making.
The international standard-setting arrangements have a number of elements designed to ensure and
protect independence. The first of these is a formal, independent public interest oversight arrangement
(the PIOB) that has authority over the key elements of the standard-setting structure and process (such
as the authority to approve appointment of individuals to the standard-setting boards and to approve their
terms of reference and due process). High levels of transparency are also critical in all aspects of the
standard-setting process from agenda-setting to development and approval of standards.
For the public interest oversight arrangements themselves to be seen to be properly independent, the
composition of the oversight body must be selected and approved outside the standard-setting
organization itself (in the case of independent standard-setting boards supported by IFAC, this
responsibility rests with the MG) (refer to Box 4).
Box 4: Membership of the PIOB
Additionally, the oversight body must be free from independence threats associated with its financing
(refer to Box 5), which could in some circumstances enable funders to exert undue or improper influence
over the decisions and actions of the body.
Box 5: Funding of the PIOB
In addition to the oversight arrangements, threats to the independence of the standard-setting boards are
safeguarded by three other aspects of the process. The first is a formally approved and highly transparent
due process (refer to Box 6 for a description of the due process arrangements for the standard-setting
boards).
8 See Chapter VIII, Article 32, Principles of Public Oversight, clause 3, and Chapter 1, Article 2, Definitions, clause 15, of the
Directive 2006/43/EC of the European Parliament and the Council on Statutory Audits of Annual Accounts and Consolidated
Accounts (EC Eighth Directive).
All ten members of the PIOB are appointed by the Nominating Committee of the MG with IFAC having no
voice in the appointment decisions, thus ensuring political accountability for the standard-setting process
of the standard-setting boards.
The members are nominated by the International Organization of Securities Commissions (IOSCO) (four
members), the International Association of Insurance Supervisors (IAIS) (one member), the Basel
Committee (one member), the World Bank (one member) and the EC (two members). The final member
is selected by the MG Nominating Committee from IFAC nominations.
The PIOB members all meet the requirements of the EC for appointment to governance positions of audit
oversight bodies.8
IFAC has given the MG a funding guarantee for the PIOB. The current agreement includes provisions for
increases associated with inflationary changes and a process for agreeing to an increase up to the
agreed funding cap. This ensures the ongoing operations of the PIOB until 2015. Funding of the PIOB
has been assisted by a funding commitment from the EC, and the MG’s willingness to arrange for
additional external funding. The PIOB is accountable to the MG in relation to its budget and the use of the
budget, and IFAC does not participate in that process.
6
Box 6: Due Process of Standard-Setting Boards
The second safeguard is the involvement of a Consultative Advisory Group (CAG) (refer to Box 7) and
Observers (refer to Box 8) in the standard-setting process.
Box 7: Consultative Advisory Group
Box 8: Observers
Finally, to protect against threats to independence there is the requirement that members of the standard-
setting boards sign declarations that they will act in the public interest and not be subject to any improper
pressure. Members of all IFAC boards and committees are required to sign such declarations annually, as
are members of the IFAC Board whose responsibility it is to appoint members of the standard-setting
boards after PIOB approval. Also, from November 2008, the organization nominating the member of a
standard-setting board must declare that they will not inappropriately influence that member.
Each of the standard-setting boards has a formal due process, approved by the PIOB. The due process
for each board covers, inter alia, project proposals, issues papers, consultation papers (where
appropriate), exposure drafts (with sufficient comment period), comment letters posted to the website,
final standards being approved only after extensive consideration of comments, and a stated basis for
conclusions.
Before any standard is issued, the PIOB must approve that due process has been followed, based on a
declaration from the Executive Director – Professional Standards and from its independent observations,
dialogues, internal reviews and deliberations, etc.
The PIOB has the right, which it exercises, to observe meetings of the standard-setting boards.
The standard-setting process is highly transparent. , The meetings are open to the public, with the full
package of agenda materials available to the public before meetings and minutes available after
meetings.
The meetings of the IAASB are recorded and the audio tape is published on the IFAC website.
The CAGs are a key element of the standard-setting arrangements. They enable the standard-setting
boards to receive technical advice, as well as advice regarding agendas, from interested external public
sector and private sector institutions. Features of the CAGs are the following:
The CAG elects its own Chair.
The Chair of the CAG is an Observer to the standard-setting board with the right of the floor.
The CAG can appoint a member to sit on the Steering Committee of the standard-setting board.
The CAG has the power to hear and to reach conclusions on matters relating to the due process of the
standard-setting board and can, if it thinks appropriate, refer a matter of due process to the PIOB.
In the case of the IAASB, meetings are attended by non-voting Observers, currently from the Public
Company Accounting Oversight Board (PCAOB), the EC, and the Japanese Financial Services Agency
(JFSA). For the IESBA, meetings are attended by non-voting Observers from the EC and JFSA.
These Observers have the right of the floor and ensure that key regulatory organizations are closely
involved in the standard-setting process. They can raise issues and present arguments during all stages
of the standard-setting process.
7
Many of the elements described above also act to protect against an independence threat to the
standard-setting boards associated with their resourcing (refer to Box 9). For example, the role of the
CAGs in providing technical input to the standard-setting process, and the role of the PIOB in ensuring
that such comments are appropriately dealt with as part of the due process, provide safeguards against
decisions that might not reflect the public interest—that is, decisions which may be perceived as being
influenced by those associated with financing the boards.
Box 9: Resourcing the Standard-Setting Boards
Transparency
Transparency is identified above as a critical element of due process which promotes independence.
Transparency also contributes to legitimacy and accountability. For this reason, transparency is central to
the functioning of the standard-setting boards, and is reflected in many elements of the structure and
process of the standard-setting boards, including those in Box 6, titled “Due process of standard setting
bodies.”
Performance
In recognizing the importance of independence—including independence from the accounting
profession—it is also important that the standard setter has the capability to perform in order to ensure
that the standards meet the objectives they are intended to achieve. In the context of a standard-setting
board this “capability to perform” might be achieved through technical knowledge and hands-on
experience.
It is important that robust and transparent arrangements exist for nominating and appointing members to
standard-setting boards, which includes effective public interest oversight (refer to Box 10).
Box 10: Nominations Process
The performance of the standard-setting board is enhanced if there is an appropriate representation of
those with current or recent technical knowledge and those with hands-on experience in the
implementation and application of the standards (refer to Box 11). Non-practitioners contribute to the
performance of the boards, especially the IESBA and IAESB, through the expertise and knowledge from
the particular fields they bring to the standard-setting process. In doing so, they represent a range of
perspectives and the broader public interest.
Resourcing is provided by way of funding from IFAC, IFAC member bodies, and the FoF, as well as
volunteer resources from a range of sources, including member bodies, firms, regulatory organizations
and others. The PIOB is responsible for evaluating the adequacy of funding provided to support the
standard-setting boards.
IFAC develops the nomination process for each standard-setting board, including the composition of such
boards, the qualifications of members, the number of members, and the make-up of the IFAC Nominating
Committee.
This process is approved by the PIOB, which also provides final approval of the chairs and other
members of boards selected by the IFAC Nominating Committee. The PIOB has authority to approve or
reject any or all proposed members of boards for good cause, stating its reasons should it choose to
reject one or more members. Also, the PIOB has authority to request the removal of the chair of any
board for good cause, explaining its reasons for doing so, should it choose to invoke this authority.
8
Box 11: Composition of Standard-Setting Boards
Competence includes current technical knowledge and skills, and knowledge of practical issues through
hands-on experience in the implementation and application of the standards. All board members must be
considered competent to sit on a standard-setting board. The role of competent practitioner board
members is important in ensuring that boards are fully aware of the likely impact on practice of new and
revised standards (refer Box 12).
Box 12: Role of Competent Practitioners on Standard-Setting Boards
Performance also refers, in a standard-setting context, to responsiveness and efficiency.
Responsiveness relates to the requirement that the process must enable new standards, or revised
standards, to be produced in a timely fashion in the event of changed circumstances. It also refers to the
need to listen and respond appropriately to concerns by stakeholders and others affected by the
standard-setting process (refer to Box 13).
9 In 2011, as part of the MG review, agreement was reached to change the practice of reserving seats on the IAASB and IESBA
for nominees of the FoF and IFAC member bodies. Relevant governance documents are in the process of being updated, and
will have effect from 2013, subject to approval by the IFAC Council. From that time, any organization or individual would be
able to nominate candidates for all positions on the standard-setting boards.
The composition of each of the standard-setting boards is 18 members, including the Chair (who in the
case of the IAASB is full-time; and in the case of IESBA, from 2013, is part-time). Ten members are
nominated by IFAC member bodies, five by the FoF9, and three are public members. The public members
may be nominated by any organization or individual; however, they must be individuals who are, and will
be seen to be, capable of representing the broad public interest.
All members of the standard-setting boards are unpaid, part-time members, except for the full-time paid
chair of the IAASB (and from 2013 the part-time paid chair of the IESBA).
Half of the members of the standard-setting boards (including the public members) are non-practitioners,
based on a definition of “non-practitioner” agreed by the MG. While individuals classified as “non-
practitioners”—whose independence from audit practice firms satisfies a strict test—are not practicing
within an audit practice firm, there is nevertheless an expectation that they will have the knowledge and
experience to participate fully in the standard-setting process.
This composition achieves an appropriate combination of independence and technical competence and
thereby helps the standard-setting boards to set standards that are in the public interest.
The practitioner members of the standard-setting boards, including those nominated by the FoF8, bring to
the boards expert knowledge of audit and professional practice and make the boards fully aware of the
likely impact in practice of changes to the standards.
This keeps the standard-setting processes grounded in the reality of current practice and reduces the
possibility of the standard-setting boards acting in an “ivory tower” manner.
The involvement of practitioners in the standard-setting process also contributes to the legitimacy and
acceptance of the standards, especially in the eyes of those who must implement them.
9
Box 13: Receiving Stakeholder Input
Efficiency refers both to economic efficiency in relation to standards (benefits exceed costs) and
productive efficiency in the process itself.
Given their global application, it is critical that the standards generate net benefits—that is, benefits from
a new or enhanced standard will exceed the economic costs of developing and implementing that
standard (refer to Box 14). Implicit in this is that standards do not impose excessive costs on the parties
who must comply with the standards.
Box 14: Standards Generating Net Benefits
Efficiency also refers to the productive efficiency of the standard-setting process itself, which is the
relationship between resources used in, and the output of, the standard-setting process. In this context
efficiency needs to be distinguished from effectiveness in fulfilling the function of the standard-setting
board. This distinction is important because in some circumstances greater productive efficiency could be
achieved but at the expense of effectiveness. The standard-setting process should be as efficient as
possible without compromising its effectiveness.
Further, the standard-setting process needs to be economical. The use of highly qualified volunteers is a
means of achieving economy in the process and also ensures that standards are set by competent
individuals with knowledge of the practical implications of the standards.
Accountability
There must be clearly established mechanisms to hold the standard-setting boards accountable, both as
board members individually and collectively as a board (refer to Box 15 for a description of these
mechanisms).
The standard-setting boards receive technical input in relation to specific standards and in relation to its
work plan from a CAG, the members and chair of which are selected independently of the standard-
setting boards and IFAC, and who largely represent regulatory and stakeholder organizations.
This ensures that a regulatory perspective on technical issues is presented to the standard-setting boards
on an ongoing basis. The CAGs also provide advice on the standard-setting boards work programs and
priorities. There is a report-back process to the CAG on how the standard-setting boards have responded
to issues raised by the CAGs.
The extensive process of consultation, along with the transparency of the standard-setting processes, act
to limit the risk of disproportionate action or excessive compliance costs.
The standard-setting boards utilize web-based procedures and protocols to disseminate exposure drafts
and collect comments in order to strengthen and facilitate the consultation process.
In the case of the IAASB, there is a consistent stream of input from IFAC’s Small and Medium Practices
(SMP) Committee to ensure that an SMP perspective (where compliance costs often fall
disproportionately) is considered. There is SMP representation on the IAASB.
10
Box 15: Accountability of Boards and Board Members
There must also be appropriate accountability arrangements for other parts of the process, such as the
oversight body (refer to Box 16).
Box 16: Accountability of the PIOB
A Balanced System
The features previously described—independence, transparency, performance and accountability—
should not be seen in isolation. The key underlying objective is overall system performance, which
involves a trade-off among these features, given that some features may work in opposition to others. For
example, independence from sectional interests or inappropriate political pressure is desirable; however,
independence from any concern for regulatory efficiency (such as due consideration of compliance costs)
is undesirable. Similarly, due process is essential to legitimacy; however, this must be balanced with
responsiveness, in that the process itself must enable a response to “events” in a timely fashion.
Further, this need for trade-offs carries implications for the allocation of functions within the overall
structure. It implies that a key design feature is the allocation of functions between public and private
sectors. For example, while oversight might desirably be in the public sector for reasons of political
legitimacy, standard setting may require the involvement of private sector practitioners for reasons of
competence and responsiveness.
Other examples of the need to balance potentially opposing features include:
There is a need within the elements of the system for balance between technical and non-technical
inputs. This balance is achieved in the elements of the standard-setting structure that are external
to IFAC through the non-technical role of the PIOB and the technical role of the CAGs. Internally,
the same balance is demonstrated through the role of FoF members and public members and the
notion of parity between practitioners and non-practitioners.
It is also desirable to achieve balance and consistency between formal structures and processes on
the one hand and the manner in which they are given operational effect, on the other. The formal
mechanisms include IFAC’s Constitution and Bylaws, the terms of reference of the standard-setting
boards, and their due process. The formal elements of structure and process are reinforced through
the means by which they are operationalized. The operational aspects include the fact that the
10
The International Federation of Accountants, 2007 IFAC Annual Report, Independence Assurance Report on Service Delivery,
p. 39.
The IFAC Annual Report includes a section reporting the services produced by each of the standard-
setting boards and describes what has been achieved during the period. The service delivery report is
subject to independent assurance from IFAC’s independent external auditors.10
The IAASB produces an annual report on its activities for the previous period. The other standard-setting
boards report within the IFAC Annual Report.
The accountability of standard-setting board members is through annual performance monitoring by the
IFAC Nominating Committee, subject to PIOB oversight.
The PIOB has authority to request IFAC to remove a member or Chair if it believes there is valid cause.
The PIOB produces an annual report on its oversight activities, and is accountable to the MG for its
budget and spending.
11
PIOB has a presence at most IFAC Board, Nominating Committee, and standard-setting board
meetings. In addition, IFAC’s officers and directors, and the chairs of the standard-setting boards
and the CAGs are periodically invited to parts of the PIOB meetings to report on their activities.
These interactions result in an ongoing process of consultation and communication that supports,
strengthens, and provides input to the formal deliberative processes of the PIOB, the CAGs, and
the standard-setting boards. With respect to the PIOB, these operational elements of the standard-
setting process have two positive results:
○ Open communication reduces the risk of miscommunication and misunderstandings between
IFAC and the standard-setting boards on the one hand and the PIOB on the other.
○ The PIOB observes all proceedings as they occur, eliminating delays in communication of
actions and decisions.
Transforming Principles into Practice
An effective system of shared responsibility for standard setting must be able to bridge the divide between
principles and practice. In this respect, it is necessary that there be internal policies and procedures to
ensure that the principles upon which the system is designed are reflected in the way the system actually
operates and that cooperation between the private and public sector components of the system of shared
responsibility is consistent and highly functional (refer to Box 17).
Box 17: Internal Policies and Procedures
There are many mechanisms, both structural and operational, through which IFAC has given effect to its
role in the shared arrangements and has sought to put into practice the spirit as well as the letter of the
shared system of responsibility for standard setting. The structural mechanisms include the following:
The IFAC Constitution and Bylaws clearly delineate the powers and roles of the IFAC Council and
Board with respect to the standard-setting boards, and also confirm IFAC’s obligations to the PIOB.
IFAC has defined the types of documents that the standard-setting boards issue. These document
types are followed to ensure consistency and legitimacy. Examples include standards, good
practice guidance, and exposure drafts.
The Terms of Reference for each of the standard-setting boards provide a consistent articulation of
the mission of each board, general meeting procedures, and rules.
○ Roles and responsibilities for chairs of the standard-setting boards are outlined in separate
documents.
○ The above-mentioned documents, plus agenda and meeting minutes, are publicly available
on the IFAC website.
○ The standard-setting boards utilize the same web-based procedures (IFAC website) and
protocols to disseminate exposure drafts, collect comments, and publish documents.
○ The annual Call for Nominations for IFAC Boards and Committees outlines the Nominating
Committee’s targets for qualifications and regional and professional representation.
Publication of this document ensures transparency and consistency in the nominations
process.
Operational mechanisms include, amongst others, the internal culture of the organization, which
emphasizes the public interest, and the performance management system. These mechanisms link
individual performance to the elements of the Strategic Plan, which itself reflects the public interest.
12
Conclusion
The combination of structural arrangements and process elements, and in particular the role of the PIOB,
is designed to ensure that international standard setting operates in the public interest. This paper
explains the principles which are considered in the design of an international standard-setting structure
and the accompanying processes. It has also outlined how the present system of shared responsibility for
standard setting has evolved, and seeks to give effect to those principles.
However, it must be recognized that shared responsibility for international standard setting is still
evolving, and current arrangements can be expected to further evolve and develop with experience in
their operation. It is useful to be clear on the principles that should govern further development.
This Policy Position has been prepared by IFAC. The approved text of this Policy Position is published in
the English language.
For further information, please email: publicpolicy@ifac.org
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ISBN: 978-1-60815-100-4
Formatting updated in October 2012
IFAC’S MISSION
IFAC's mission is to serve the public interest by:
Contributing to the development, adoption and implementation of high-quality international
standards and guidance
Contributing to the development of strong professional accountancy organizations and accounting
firms, and to high-quality practices by professional accountants
Promoting the value of professional accountants worldwide
Speaking out on public interest issues where the accountancy profession's expertise is most
relevant
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Appendix 1: Standard-Setting Boards’ Oversight and Consultation
Source: PIOB website: www.ipiob.org/
14
Source: PIOB website: www.ipiob.org/
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Appendix 2: Descriptions of Bodies Involved in Oversight and Monitoring of
Standard-Setting Arrangements
Monitoring Group (MG)
The MG is a group of international financial institutions and regulatory bodies committed to advancing the
public interest in areas related to international audit standard setting and audit quality. Members of the
MG are the Basel Committee on Banking Supervision, European Commission, Financial Stability Board,
International Association of Insurance Supervisors, International Organization of Securities Commissions,
and the World Bank.
The mission of the MG is to:
cooperate in the interest of promoting high-quality international auditing and assurance, ethical and
education standards for accountants;
monitor the implementation and effectiveness of the IFAC Reforms, and in that connection, to
undertake an effectiveness assessment of the IFAC Reforms and other aspects of IFAC's
operations that involve the public interest;
through its Nominating Committee, appoint the members of the Public Interest Oversight Board
(PIOB);
monitor the execution by the PIOB of its mandate;
consult and advise the PIOB with respect to regulatory, legal and policy developments that are
pertinent to the PIOB's public interest oversight; and
convene to discuss issues and share views relating to international audit quality as well as to
regulatory and market developments having an impact on auditing.
Public Interest Oversight Board (PIOB)
Members of the PIOB are appointed by the MG from nominations received from International
Organization of Securities Commissions, the Basel Committee on Banking Supervision, the International
Association of Insurance Supervisors, the World Bank, the European Commission, and IFAC.
The PIOB is an oversight body that provides enhanced credibility and legitimacy to the operation of the
three independent international standard-setting boards that it oversees (the Public Interest Activity
Committees (PIACs) supported by IFAC). These comprise the International Auditing and Assurance
Standards Board (IAASB), International Accounting Education Standards Board (IAESB), International
Ethics Standards Board for Accountants (IESBA), their respective Consultative Advisory Groups (CAGs),
and the Compliance Advisory Panel (CAP).
Specifically, the PIOB:
Reviews and approves Terms of Reference for these entities;
Evaluates the Boards' due process procedures;
Oversees the work of IFAC's Nominating Committee and approves the committee's nominations to
the standard-setting Boards, the CAG´s and the CAP;
Oversees the Public Interest work of the CAP, and
Suggests projects to be added to the boards' work programs.
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The Chair of the PIOB also has the right to attend and to speak at IFAC Board meetings.
The PIOB’s ultimate responsibility to consider whether this due process has been applied effectively and
with proper regards for the public interest.
Consultative Advisory Groups (CAGs)
CAGs are comprised of member organizations interested in the development and maintenance of high-
quality international standards. Depending upon the board, membership provides a balance of
geographical representation and a balance between regulators, international organizations, users and
preparers of financial statements, and academics.
CAGs provide input to and assist the independent standard-setting boards through consultation with the
CAG member organizations and their representatives at the CAG meetings, in order to obtain:
Advice on the boards’ agenda and project timetable (work program), including project priorities;
Technical advice on projects; and
Advice on other matters of relevance to the activities of the boards.
The CAG terms of reference are approved by the PIOB, which oversees the work of the CAG and
approves the CAG operating procedures for reappointing member organizations and for appointing or
reappointing the CAG Chair. The CAG Chair is expected to attend board meetings as an observer (or to
appoint a representative to attend) where he/she has the privilege of the floor.
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Appendix 3: Adoption or Endorsement of Auditing, Ethics, and Education
Standards
Summary of the use of International Standards on Auditing (ISAs):
1. 126 jurisdictions around the world have adopted the ISAs or otherwise use them as the basis of
their national standards.
2. There is significant acceptance of the ISAs for audits of financial statements of foreign issuers
among the world’s largest stock markets.
3. In the United States, the Auditing Standards Board of the AICPA, which sets standards for unlisted
companies in the United States, has issued revised standards which are based on ISAs.
4. The Financial Stability Boards identifies the ISAs as one of the 12 key international standards
relevant to sound, stable, and well-functioning financial systems.
5. The International Organization of Securities Commissions (IOSCO), the Basel Committee on
Banking Supervision, the World Federation of Exchanges, the World Bank, and the United Nations
Conference on Trade and Development have expressed their support for the ISAs.
6. The 22 largest firms’ audit methodologies align with ISAs. The FoF promotes the consistent
application of high quality audit practices worldwide, including the use of ISAs, and has expressed
support for convergence of national audit standards with ISAs.
7. The International Organization of Supreme Audit Institutions (INTOSAI) Financial Audit
Subcommittee (FAS) has developed INTOSAI guidelines based on the clarified ISAs, referred to as
the International Standards of Supreme Audit Institutions (ISSAIs) for financial audit. An INTOSAI
guideline consists of a Practice Note and the ISA it refers to, or of a newly written INTOSAI
guideline and general guidance on public sector issues. In November 2010, the South African
Declaration on ISSAIs was issued as part of the Johannesburg Accords summarizing the results of
the 20th INCOSAI, the triennial Congress of INTOSAI. This important milestone for INTOSAI is
evidence of the acceptance of ISAs for public sector audits, which has been a goal of the IAASB in
partnering with INTOSAI.
The Code of Ethics for Professional Accountants is also adopted, endorsed or strongly supported in
over 100 countries. The FoF membership obligations require that members have policies and
methodologies that conform to the IFAC Code of Ethics. Additionally, the World Bank ROSC program
uses the IFAC Code of Ethics as the benchmark for assessing a national code of ethics.
International Education Standards are used by IFAC member bodies and other professional
accountancy organizations as a basis for determining their own education requirements, and through the
Compliance Program are increasingly becoming the basis for the education of accountants and auditors.
The World Bank ROSC program also uses the International Accounting Education Standards Board’s
International Education Standards as the benchmark for assessing national systems of accounting
education.
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